We are one of the leading suppliers within antennas, filters and combiner systems for wireless 2-way radio communication for professional users.

Corporate Responsibility

Ethical and human rights are key elements in our approach to business.

Amphenol Corporate Responsibility

Amphenol is committed to social and environmental responsibility and have a strong belief in ethical and human rights. This is key elements in our approach to business.

Corporate Responsibility

Slavery and Human Trafficking Statement

The California Transparency in Supply Chains Act of 2010 ("CTSCA") and the United Kingdom Modern Slavery Act of 2015 ("UKMSA") require certain businesses to provide disclosures concerning their efforts to address the issues of slavery and human trafficking in their supply chains. In addition, the U.S. Federal Acquisition Regulations (FAR) require certain government contractors to have an anti-slavery program in place in compliance with FAR 52.222-50. In response to the CTSCA, the FAR and the UKMSA, this statement outlines Amphenol's efforts to ensure that slavery and human trafficking are not taking place in our supply chain or in any part of our business.

Amphenol is committed to social and environmental responsibility and has zero tolerance for slavery and human trafficking. As part of this commitment, Amphenol is a member of the Electronic Industry Citizenship Coalition (EICC). Since 2004, the EICC Code of Conduct has prohibited the use of forced, bonded and indentured labor and involuntary prison labor. Amphenol, along with all EICC members, has made a commitment to implement the EICC Code of Conduct across our supply chain. Additionally, Amphenol's commitment to human rights is reflected in the various provisions of our Code of Business Conduct and Ethics, which has been approved by the company's Board of Directors.

Amphenol continues to review and improve its efforts at minimizing the potential for human trafficking and slavery of any form in our supply chain. These efforts include, but are not limited to:

Requiring supplier compliance with Amphenol's Code of Business Conduct and Ethics as well as to all applicable laws, in our General Terms and Conditions of Purchase of goods and services.

Developing and implementing procedures for suppliers to certify that they are acting in a manner consistent with Amphenol's standards.

Developing and implementing procedures to evaluate and track supplier compliance with Amphenol's standards for human trafficking and slavery in the supply chain.

Conducting on-going training on Amphenol's Code of Business Conduct and Ethics.

Conflict Minerals Sourcing Policy

"Conflict minerals"[1] originating from the Democratic Republic of the Congo (DRC) are sometimes mined and sold, "under the control of armed groups"[2], to "finance conflict characterized by extreme levels of violence"[2].

Some of these minerals can make their way into the supply chains of the products used around the world, including those in the electronics industry. Procom's suppliers acquire and use conflict minerals from multiple sources worldwide. As part of APN's commitment to corporate responsibility and respecting human rights in our own operations and in our global supply chain, it is APN's goal to use tantalum, tin, tungsten and gold in our products that do not directly or indirectly finance or benefit armed groups in the DRC or adjoining countries while continuing to support responsible mineral sourcing in the region.

Procom expects our suppliers to have in place policies and due diligence measures that will enable us to reasonably assure that products and components supplied to us containing conflict minerals are DRC conflict free[3]. APN expects our suppliers to comply with the Electronic Industry Citizenship Coalition (EICC) Code of Conduct and conduct their business in alignment with Procom's supply chain responsibility expectations.In support of this policy, Procom will:

[1]"Conflict minerals" as defined by Securities and Exchange Commission (SEC) rules is a broad term which means columbitetantalite (coltan), cassiterite, gold, wolframite, or their derivatives which are limited to tantalum, tin or tungsten, regardless of whether these minerals finance conflict in the Democratic Republic of the Congo (DRC) or adjoining countries.[2]Dodd-Frank Act Section 1502.[3]DRC conflict free "means that a product does not contain conflict minerals necessary to the functionality or production of that product that directly or indirectly finance or benefit armed groups" as defined SEC Rule 13p-1 under the Securities Exchange Act of 1934.4. We use the term "conflict free" in a broader sense to refer to suppliers, supply chains, smelters and refiners whose sources of conflict minerals did not or do not directly or indirectly finance or benefit armed groups in the DRC or adjoining countries.